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本文(ASTM E2205 E2205M-2002(2014) Standard Guide for Risk-Based Corrective Action for Protection of Ecological Resources《为保护生态资源所采取的基于风险矫正行动的标准指南》.pdf)为本站会员(李朗)主动上传,麦多课文库仅提供信息存储空间,仅对用户上传内容的表现方式做保护处理,对上载内容本身不做任何修改或编辑。 若此文所含内容侵犯了您的版权或隐私,请立即通知麦多课文库(发送邮件至master@mydoc123.com或直接QQ联系客服),我们立即给予删除!

ASTM E2205 E2205M-2002(2014) Standard Guide for Risk-Based Corrective Action for Protection of Ecological Resources《为保护生态资源所采取的基于风险矫正行动的标准指南》.pdf

1、Designation: E2205/E2205M 02 (Reapproved 2014)Standard Guide forRisk-Based Corrective Action for Protection of EcologicalResources1This standard is issued under the fixed designation E2205/E2205M; the number immediately following the designation indicates the yearof original adoption or, in the case

2、 of revision, the year of last revision. A number in parentheses indicates the year of last reapproval.A superscript epsilon () indicates an editorial change since the last revision or reapproval.INTRODUCTIONThis guide for risk-based corrective action for the protection of ecological resources (Eco-

3、RBCA)provides a flexible framework for a tiered approach to ecological risk assessment (ERA) and riskmanagement decision-making at chemical release sites. The framework of the Eco-RBCA guideparallels the framework in Guide E2081 with respect to the tiered approach for data gathering,evaluation and d

4、ecision-making, and should, when possible, be conducted concurrent with the broaderRBCA process activities. The Eco-RBCA guide directs the user to Guide E2081 for development andimplementation of a corrective action program. This guide supplements Guide E2081 and wasdeveloped after careful considera

5、tion of the peer-reviewed published literature and existing federal,regional, and state ecological riskassessment guidance. The user of this guide, as defined in 3.1.45,needs to be familiar with Guide E2081 and the overall RBCA process. The RBCA process providesa flexible, technically defensible fra

6、mework for corrective action that has applicability to a wide rangeof sites and chemicals of concern.ASTM guides are not federal or state regulations; rather, they are consensus standards that can befollowed voluntarily. It is not within the scope of this standard to provide the details of specificr

7、egulatory requirements. Collectively, the Eco-RBCA and RBCA guides provide an integratedframework to corrective action. Eco-RBCA is intended to complement rather than replace thedecision-making structures of regulatory programs. In addition, Eco-RBCA is intended to provide aframework for sites not c

8、overed under regulatory programs, for sites under regulatory programs thatlack guidance, or for sites under programs with guidance that lack detail. Eco-RBCAmay also providea useful framework to help merge an approach when multiple regulatory programs apply. Even whena site is not currently governed

9、 by a regulatory program, consultation with the appropriate regulatoryagency(ies) will ensure regulatory compliance and provide technical guidance.The Eco-RBCAprocess is intended to accommodate a diversity of sites and conditions by providinga framework that can address site-specific needs. The appe

10、ndixes provide useful technical details andcase study examples, although the application of this guide does not require their use. Eco-RBCA isa process for evaluating ecological risk and decision making. To facilitate the implementation ofEco-RBCA, the framework is organized into ten steps and three

11、 risk assessment tiers that begin withrelatively simple analyses and progress to more complex assessments as site conditions warrant (seeFig. 1). Although organized into steps and tiers, the user should recognize that Eco-RBCA progressesconceptually in a linear manner, but may not be implemented in

12、a linear manner. The objective shouldbe to conduct the evaluation in the manner that most appropriately meets the needs and goals of theassessment. Each tier includes five types of activities that increase in complexity and level of effortas the evaluation progresses through the RBCAprocess. These a

13、ctivities are (1) planning and scoping,(2) data and information acquisition, (3) analysis and evaluation, (4) decision making, and (5)remedial actions. The details of the activities and how they are implemented can vary, depending onthe nature and complexity of the site and the tier level. Early in

14、the Eco-RBCA process, assumptionsare biased toward being overly protective (that is, “conservative”) because of uncertainties inherent innonsite-specific data. Typically, as the site progresses through the tiered evaluation, more site-specificinformation is collected and uncertainty decreases; there

15、fore, less-conservative assumptions can beused in the evaluation. As understanding of site conditions improves, confidence often increases. Theprogression of the evaluation through the tiered process is accompanied by an increasing degree offormalization that could include the documentation of a scr

16、eening-level assessment or the use ofCopyright ASTM International, 100 Barr Harbor Drive, PO Box C700, West Conshohocken, PA 19428-2959. United States1formal ecological risk assessment (ERA) methods. As additional site-specific information isdeveloped, the uncertainty associated with site conditions

17、 is reduced. Commensurate with this reduceduncertainty, the user can employ more site-specific and less conservative estimates and assumptionsof exposure and effects. The manner in which uncertainty, conservatism, data quality, and othertechnical aspects are addressed is by technical policy decision

18、s.Technical policy decisions (TPDs) are an important part of the Eco-RBCA process, and while it isnot within the scope of this standard to identify the TPDs appropriate for a specific site, Appendix X2and Guide E2081 provide additional insight into their identification, understanding, and developmen

19、t.Technical policy decisions generally fall into three categories: (1) those that are identified as existingprior to the Eco-RBCAassessment and will not change (that is, prescribed and without flexibility suchas regulations or policy), (2) those that are identified as existing prior to the Eco-RBCA

20、assessmentbut may change or be modified based on site-specific information (for example, sampling protocols,selection of models or other tools, or corrective-action goals), and (3) those that are developedspecifically for the Eco-RBCA assessment (for example, development of a site-specific model).Te

21、chnical policy decisions are typically identified, negotiated (if appropriate), and documented in theinitial site assessment (see 7.1). It is the responsibility of the user of the Eco-RBCA guide to identifyand consider the TPDs and appropriate stakeholders for a site. These TPDs may need to be reeva

22、luatedeach time the Eco-RBCA evaluation proceeds through an iteration or progresses to a new tier. Boththe RBCA and Eco-RBCA processes encourage user-led initiatives and appropriate stakeholderinvolvement in identifying TPDs and developing the Eco-RBCA program. Laws and regulations mayrequire coordi

23、nation with federal, state, and natural resource trustees.This guide serves to complement existing guidance for hazardous-waste sites and facilities and toprovide guidance for sites not under regulatory programs. This guide does not substitute for applicablefederal, regional, state, local, or other

24、regulatory requirements. This guide is not a regulation itself andmay not apply to a particular situation, based on the circumstances.This guide is not intended to replace professional judgment or to recommend a specific course ofaction.All aspects of this guide might not be applicable in all circum

25、stances. This guide is not intendedto represent or replace the standard of care by which the adequacy of a given professional service isjudged, nor should this document be applied without consideration of a projects many unique aspects.The word “Standard” in the title of this document means only tha

26、t the document has been approvedthrough the ASTM consensus process.1This guide is under the jurisdiction of ASTM Committee E50 on Environmental Assessment, Risk Management and Corrective Action and is the direct responsibilityof Subcommittee E50.04 on Corrective Action.Current edition approved Dec.

27、1, 2014. Published May 2015. Originally approved in 2002. Last previous edition approved in 2009 as E2205 02(2009)1. DOI:10.1520/E2205_E2205M-02R14.E2205/E2205M 02 (2014)2FIG. 1 Eco-RBCA Process FlowchartAdapted from the RBCA Flowchart (Guide E2081)E2205/E2205M 02 (2014)3FIG. 2 Tier 1 Evaluation Flo

28、wchartE2205/E2205M 02 (2014)4FIG. 3 Tier 2 Evaluation FlowchartE2205/E2205M 02 (2014)5FIG. 4 Tier 3 Evaluation FlowchartE2205/E2205M 02 (2014)61. Scope1.1 This is a guide to risk-based corrective action for theprotection of ecological resources and supplements the RBCAprocess (Guide E2081). The prim

29、ary objective of the Eco-RBCA process is to provide a flexible framework for a tieredapproach to ERA and risk management decision making atchemical release sites. To this end, available guidance docu-ments from various federal and state agencies were reviewedand their common attributes incorporated

30、into this guide,where possible. The Eco-RBCA process complements existingtechnical and regulatory ecological risk guidance (see 4.2). Inparticular, it is intended to be compatible with the USEPAprogrammatic guidelines for ERA (1)2, guidance for theSuperfund program (2), and other USEPA (3) risk asse

31、ssmentand corrective-action programs. Eco-RBCAmight also be usedin conjunction with corrective action strategies that includehuman health issues (for example, Guide E2081).1.2 Chemical release sites vary greatly in terms ofcomplexity, physical and chemical characteristics, and the riskthat they migh

32、t pose to ecological resources. The Eco-RBCAprocess, as described in Guide E2081, recognizes this variabil-ity and incorporates a tiered approach that integrates siteassessment, response actions, and remedial actions with ERA.The process begins with relatively simple analyses in Tier 1and, if necess

33、ary, proceeds to more detailed evaluations in Tier2 or Tier 3. The process of gathering and evaluating data isconducted in such a manner that only those data that arenecessary for a given tiers decision making are collected ateach tier. Hence, this can facilitate effective use of resourcesand reduce

34、 initial data requirements.1.3 Eco-RBCA is intended to provide a framework for sitesnot covered under regulatory programs and for sites underregulatory programs that lack specific guidance. Eco-RBCAmay also provide a useful framework to help merge severalpossible approaches into a single approach wh

35、en multipleregulatory programs apply. The user should be aware of thefederal, state, and local corrective action programs and policiesthat are applicable for the site and, regardless of the program,that agency approvals might be required to implement theprocess for completing ERAs.1.4 Various TPDs w

36、ill need to be made regarding theaspects of Eco-RBCA. These TPDs may cover both thephilosophical and methodological aspects, from what values toprotect to exactly how the Eco-RBCA process will be per-formed. TPDs may affect every stage of the process, from theinitial site assessment to development a

37、nd monitoring of theremedy. It is the responsibility of the user to identify theappropriate TPDs. Section 7, Appendix X2, and Guide E2081provide more detail regarding TPDs in the Eco-RBCAprocess.1.5 The general performance standard for this documentrequires that:1.5.1 Applicable TPDs be identified,

38、beginning at the ini-tiation of the Eco-RBCA process, and as appropriate, at laterstages;1.5.2 Data used in the Eco-RBCA process be of sufficientquantity and quality to answer the questions and support thedecisions made at the tier of investigation;1.5.3 Site assessments be distinguished into tiers

39、of appro-priate levels of evaluation;1.5.4 Actions taken should integrate the Eco-RBCA processfor the protection of relevant ecological receptors and habitatsand RBCA for the protection of human health (see GuideE2081), as appropriate;1.5.5 Applicable federal, state, and local laws and regula-tions

40、be followed; and1.5.6 Potential adverse effects on relevant ecological recep-tors and habitats be considered when selecting remedial actionalternatives. The remedial action alternatives should be con-sistent with the TPDs and the RBCA process (see GuideE2081).1.6 Ecological resources are the focus o

41、f this guide; risks tohuman health are addressed for petroleum releases and chemi-cal releases in other ASTM RBCA standards (Guides E1739and E2081). There are many features common to all three ofthe RBCA guides. These three guides share the basic elementsof RBCA: (1) site assessment; (2) tiered eval

42、uations ofexposure, effects, and risk; (3) risk-based decision making; and(4) response, remedial action, and monitoring. There are anumber of distinctions between human health and ecologicalrisk assessments. For example, while human health risk assess-ments focus on individuals, evaluations of ecolo

43、gical risktypically focus on populations, communities, or ecosystems.Exceptions are species or habitats designated for specialprotection (for example, endangered species). Biological datato support an ERA are more amenable to direct field observa-tion than are human exposure and epidemiological data

44、.1.7 The Eco-RBCA process addresses current and potentialfuture risks to relevant ecological receptors and habitats atchemical release sites. It is not intended to apply to currentpermitted releases and permit applications.1.8 Eco-RBCA focuses on chemical stressors. However, theuser may need to cons

45、ider biological or physical stressors at thesite or effects from chemical sources unrelated to the site.1.9 The process described in this guide integrates theprinciples of current ERA practices with site assessmentactivities and remedial-action selection to ensure that the riskmanagement decision pr

46、otects ecological resources. Fig. 1illustrates the following activities in Eco-RBCA and thosedescribed in Section 7 (7.1 7.10):1.9.1 Step 1Initial Site Assessment;1.9.2 Step 2Decision Point;1.9.3 Step 3Tier 1 Ecological Risk Assessment;1.9.4 Step 4Tier 1 Decision Point;1.9.5 Step 5Tier 2 Ecological

47、Risk Assessment;1.9.6 Step 6Tier 2 Decision Point;1.9.7 Step 7Tier 3 Ecological Risk Assessment;1.9.8 Step 8Tier 3 Decision Point;1.9.9 Step 9Implementing the Remedial Action Program;and1.9.10 Step 10Monitoring Programs (7.10).2The boldface numbers in parentheses refer to the list of references at t

48、he end ofthis standard.E2205/E2205M 02 (2014)71.9.11 The above steps can be applied in a flexible manner.It may not be necessary to conduct a full tier of evaluation ifexisting site information indicates that a subsequent tier ismore applicable to address site-specific concerns. Where ex-perience in

49、dicates that a more sophisticated assessment iswarranted at a site, the user may elect to proceed conceptuallythrough any earlier tiers to conduct a site-specific assessmenttypical of Tier 2 or Tier 3. Additionally, the decision points inSteps 4, 6, and 8 allow the user to exit the tiered evaluationprocess and select the appropriate remedial action once ad-equate information is available for decision making.1.10 This guide is organized as follows:1.10.1 Section 2 lists referenced ASTM documents;1.10.2 Section 3 defines terminology used in this guide;1.10.3

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